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ICE Futures U.S. proposes a change to its Disruptive Trading Practices FAQs to make clear that it would regard as prohibited disruptive trading the placement of an order to transact against a covered options strategy in connection with a user-defined strategy that is intentionally purposed to cause an amount of futures contracts to be executed greater or less than the expected hedge. IFUS’s proposed guidance amendment is scheduled to be effective August 29.